Edelweiss Liquid Fund An open-ended liquid scheme

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Edelweiss Liquid Fund An open-ended liquid scheme Key Information Memorandum (KIM) and Application Form Continuous offer of Units of R 1000 per Unit at Net Asset Value (NAV) based prices, subject to applicable loads thereafter. NAME OF MUTUAL FUND Edelweiss Mutual Fund Edelweiss House, Off. C.S.T Road, Kalina, Mumbai 400 098 www.edelweissmf.com This product is suitable for investors who are seeking*: Income over short term Investments in money market and debt securities * Investors should consult their financial advisers if in doubt about whether the product is suitable for them. Riskometer Investors understand that their principal will be at Low risk TRUSTEE: Edelweiss Trusteeship Company Limited (CIN: U67100MH2007PLC173779) Registered Office: Edelweiss House, Off. C.S.T Road, Kalina, Mumbai 400 098 SPONSOR: Edelweiss Financial Services Limited Edelweiss House, Off. C.S.T Road, Kalina, Mumbai - 400 098 www.edelweissfin.com INVESTORS SHOULD NOTE THAT: This Key Information Memorandum (KIM) sets forth the information, which a prospective investor ought to know before investing. For further details of the Scheme/Mutual, due diligence certificate by the AMC, Key Personnel, investors rights & services, risk factors, penalties & pending litigations etc. investors should, before investment, refer to the Scheme Information Document and Statement or Additional Information available free of cost at any of the Investor Service Centers or distributors or from the website www.edelweissmf.com The Scheme particulars have been prepared in accordance with Securities and Exchange Board of India (Mutual Funds) Regulations 1996, as amended till date, and filed with Securities and Exchange Board of India (SEBI). The units being offered for public subscription have not been approved or disapproved by SEBI, nor has SEBI certified the accuracy or adequacy of this KIM INVESTMENT MANAGER: Edelweiss Asset Management Limited (CIN: U65991MH2007PLC173409) Registered Office: Edelweiss House, Off. C.S.T Road, Kalina, Mumbai 400098 www.edelweissmf.com REGISTRAR: Karvy Computershare Private Limited Unit - Edelweiss Mutual Fund Karvy Selenium Tower B, Plot No 31 & 32, Gachibowli, Financial District, Nanakramguda, Serilingampally, Hyderabad 500 008, Tel:040-67161500 This KIM is dated November 27, 2017. TOLL FREE 1800 425 0090 NON TOLL FREE +91 40 23001181 SMS IQ to 5757590 WEBSITE www.edelweissmf.com EMAIL : INVESTORS emfhelp@edelweissfin.com

Investment Objective Asset Allocation Pattern of the Scheme Edelweiss Liquid Fund The investment objective of the Scheme is to provide reasonable returns, commensurate with low risk while providing a high level of liquidity, through a portfolio of money market and debt securities. However there can be no assurance that the investment objectives of the Scheme will be realized. Under normal circumstances, it is anticipated that the asset allocation shall be as follows: Type of Instruments Normal allocation (% of net assets) Risk profile Money market instruments (including cash and reverse repo and debt instruments with maturity up to 91 days)* Up to 100% Low Securitised debt instruments with maturity up to 91 days Up to 30% Low Risk Profile of the Scheme *Investment in Derivatives - Up to 10% of the net asset of the Scheme Floating rate debt instruments are debt instruments issued by Central / state governments, corporates, PSUs, etc. with interest rates that are reset periodically. The periodicity of interest reset could be daily, monthly, quarterly, half yearly, and annually or any other periodicity that may be mutually agreed between the issuer and the Fund. The Scheme shall not invest in foreign securitised debt. Money market instruments include commercial papers, commercial bills, treasury bills, Collateralised Borrowing and Lending Obligations (CBLO), government securities having an unexpired maturity up to one year, call or notice money, certificates of deposit, usance bills and any other like instruments as specified by the RBI from time to time. The Scheme can invest up to 50% of net assets in foreign securities. The cumulative gross exposure through equity, debt and derivative positions should not exceed 100% of the net assets of the Scheme. Cash or cash equivalents with residual maturity of less than 91 days will be treated as not creating any exposure. Mutual Fund Units involve investment risks including the possible loss of principal. Please read the SID carefully for details on risk factors before investment. 1) Standard Risk factors Investment in mutual fund units involves investment risks such as trading volumes, settlement risk, liquidity risk, default risk including the possible loss of principal. As the price/value/interest rates of the Securities in which a Scheme invests fluctuates, the value of a Unit Holder s investment in the Scheme may go up or down. Past performance of the Sponsor/AMC/Mutual Fund does not guarantee future performance of a Scheme. The name of the Scheme does not in any manner indicate either the quality of the Scheme or its future prospects and returns. The Sponsor is not responsible or liable for any loss resulting from the operations of a Scheme beyond the initial contribution of r 1,00,000/- (Rupees One Lakh) made by it towards setting up the Mutual Fund. The present Scheme is not guaranteed or assured return scheme. Mutual funds, like Securities investments, are subject to market and other risks and there can be no guarantee against loss resulting from an investment in a Scheme nor can there be any assurance that a Scheme s objectives will be achieved. As with any investment in Securities, the NAV of the Units can go up or down depending on various factors and forces affecting capital markets. 2) Scheme Specific Risk factors (a) Risks Associated with investing in Money Market Instruments: Investments in money market instruments would involve a moderate credit risk i.e. risk of an issuer s inability to meet the interest and principal payments. Money market instruments may also be subject to price volatility due to factors such as changes in interest rates, general level of market liquidity and market perception of creditworthiness of the issuer of such instruments. The NAV of the Units, to the extent that the corpus of the Scheme is invested in money market instruments, will be affected by the changes in the level of interest rates. When interest rates in the market rise, the value of a portfolio of money market instruments can be expected to decline. (b) Risks associated with investing in Bonds Investing in Debt Securities: The NAV of the Scheme, to the extent invested in Debt Securities, will be affected by changes in the general level of interest rates. The NAV of the Scheme would be expected to increase from a fall in interest rates while it would be adversely affected by an increase in the level of interest rates. Debt Securities, while fairly liquid, lack a well-developed secondary market, which may restrict the selling ability of the investment by the Scheme and may lead to the Scheme incurring losses until the security is sold. Debt Securities are subject to the risk of the issuer s inability to meet interest and principal payments on its obligations and market perception of the creditworthiness of the issuer The AMC may, considering the overall level of risk of the portfolio, invest in lower rated Debt Securities offering higher yields. The liquidity of investments made by the Scheme may be restricted by trading volumes and settlement periods. Different segments of the Indian financial markets have different settlement periods and such periods may be extended significantly by unforeseen circumstances. The Trustee has the right, in its sole discretion to limit Redemptions (including suspending Redemption) in certain circumstances [outlined in Restrictions on Redemptions ]. There may be temporary periods when the monies of the Scheme are un-invested and no return is earned thereon. The inability of the Scheme to make intended Securities purchases, due to settlement problems, could cause the Scheme to miss certain investment opportunities. By the same token, the inability to sell Debt Securities held in the Scheme s portfolio due to the absence of a well developed and liquid secondary market for Debt Securities could result, at times, in potential losses to the Scheme, should there be a subsequent decline in the value of the Debt Securities held in the Scheme s portfolio. The liquidity and valuation of the Scheme s investments due to its holdings of unlisted Debt Securities may be affected if they have to be sold prior to their target date of divestment. Debt Securities, which are not quoted on the stock exchanges, are inherently illiquid in nature and carry a larger amount of liquidity risk, in comparison to Debt Securities that are listed on the exchanges or offer other exit options to the investor, including a put option. The AMC may choose to invest in unlisted Debt Securities that offer attractive yields within regulatory limits. This may however increase the risk of the portfolio. Additionally, the liquidity and valuation of the Scheme s investment due to its holdings of the unlisted Securities may be affected if they have to be sold prior to the target date of investment. Page 2

Edelweiss Liquid Fund While Debt Securities that are listed on a stock exchange carry lower liquidity risk, the ability to sell these investments is limited by the overall trading volume on the stock exchanges. Money market Securities, while fairly liquid, lacks a well-developed secondary market, which may restrict the selling ability of a Scheme and may lead to the Scheme incurring losses till the Security is finally sold. Debt Securities, as well as money market securities, are subject to the risk of an issuer s inability to meet interest and principal payments on its debt obligations (credit risk). These securities may also be subject to price volatility due to factors such as, amongst others, changes in interest rates, general level of market liquidity and market perception of the creditworthiness of the issuer (market risk). The AMC will endeavour to manage credit risk through in-house credit analysis. The Scheme may also, but is not obliged to, use various hedging products from time to time, as are available and permitted by SEBI, to attempt to reduce the impact of undue market volatility on the Scheme s portfolio. There is no guarantee that hedging techniques will achieve the desired result. The investments made by the Scheme are subject to reinvestment risk. This risk refers to the interest rate levels at which cash flows received from the Debt Securities in the Scheme are reinvested. The additional income from reinvestment is the interest on interest component. The risk is that the rate at which interim cash flows can be reinvested may be lower than that originally assumed. The NAV of the Scheme s Units, to the extent that the Scheme is invested in fixed income Securities, will be affected by changes in the general level of interest rates. When interest rates decline, the value of a portfolio of fixed income Securities can be expected to rise. Conversely, when interest rates rise, the value of a portfolio of fixed income Securities can be expected to decline. To the extent the Scheme s investments are in floating rate debt instruments or fixed debt instruments swapped for floating rate return, they will be affected by interest rate movement (basis risk) - coupon rates on floating rate securities are reset periodically in line with the benchmark index movement. Normally, the interest rate risk inherent in a floating rate instrument is limited compared to a fixed rate instrument. Changes in the prevailing level of interest rates will likely affect the value of the Scheme s holdings until the next reset date and thus the value of the Units of such Scheme. The value of Debt Securities held by the Scheme generally will vary inversely with changes in prevailing interest rates. The Scheme could be exposed to interest rate risk: (i) due to the time gap in the resetting of the benchmark rates, and (ii) to the extent the benchmark index fails to capture interest rate changes appropriately (spread risk): though the basis (i.e. benchmark) gets readjusted on a regular basis, the spread (i.e. markup) over benchmark remains constant. This can result in some volatility to the holding period return of floating rate instruments. Settlement Risk (counterparty risk): Specific floating rate assets may also be created by swapping a fixed return into a floating rate return. In such a swap, there is the risk that the counterparty (who will pay the floating rate return and receive the fixed rate return) may default; Liquidity Risk: The market for floating rate Securities is still in its evolutionary stage and therefore may render the market illiquid from time to time, in relation to such Securities that the Scheme is invested in. Prepayment Risk: The borrowers/issuer of security may prepay the receivables prior to their respective due dates. This may result in change in the yield and tenor for the Scheme. Different types of Securities in which the Scheme may invest as described in this SID carry different levels and types of risk. Accordingly, the Scheme s risk may increase or decrease depending upon its investment pattern. E.g. corporate bonds carry a higher amount of risk than Government of India ( GoI ) Securities. Further even among corporate bonds, bonds which are rated AAA are comparatively less risky than bonds which are AA rated. Investments in the Scheme made in foreign currency by a Unit Holder are subject to the risk of fluctuation in the value of Indian Rupee. (c) Risks Associated with Derivatives Derivative products are leveraged instruments and can provide disproportionate gains as well as disproportionate losses to the investor. Execution of such strategies depends on the ability of the fund manager to identify such opportunities. Identification and execution of the strategies to be pursued by the fund manager involves uncertainty and the decision of fund manager may not always be profitable. No assurance can be given that the fund manager will be able to identify or execute such strategies. The risks associated with the use of derivatives are different from or possibly grater than, the risks associated with investing directly in securities and other traditional investments. As and when the Scheme trades in derivative products, there are risk factors and issues concerning the use of derivatives that investors should understand. Derivatives require the maintenance of adequate controls to monitor such transactions and the embedded market risks that a derivative adds to the portfolio. Besides the price of the underlying asset, the volatility, tenor and interest rates affect the pricing of derivatives. Other risks in using derivatives include but are not limited to: (i) Credit Risk: This occurs when a counterparty defaults on a transaction before settlement and therefore, the Scheme is compelled to negotiate with another counterparty at the then prevailing (possibly unfavorable) market price, in order to maintain the validity of the hedge. (ii) Market Liquidity Risk: This is where the derivatives cannot be sold at prices that reflect the underlying assets, rates and indices. (iii) Model Risk: This is the risk of mis-pricing or improper valuation of derivatives. (iv) Basis Risk: This is when the instrument used as a hedge does not match the movement in the instrument / underlying asset being hedged. The risks may be inter-related also; for e.g. interest rate movements can affect equity prices, which could influence specific issuer / industry assets. (d) Risks associated with Short Selling and Securities Lending The risks in lending portfolio Securities, as with other extensions of credit, consist of the failure of another party, in this case the approved intermediary, to comply with the terms of the agreement entered into between the lender of Securities, i.e. the Scheme, and the approved intermediary. Such failure to comply can result in a possible loss of rights in the collateral put up by the borrower of the Securities, the inability of the approved intermediary to return the Securities deposited by the lender and the possible loss of any corporate benefits accruing to the lender from the Securities deposited with the approved intermediary. The Mutual Fund may not be able to sell such Securities and this can lead to temporary illiquidity. (e) Risks associated with Overseas Investment Subject to necessary approvals and within the investment objectives of the Scheme, the Scheme may invest in overseas markets which carry risks related to fluctuations in the foreign exchange rates, the nature of the securities market of the country, restrictions on repatriation of capital due to exchange controls and the political environment. Further the repatriation of capital to India may also be hampered by and changes in Regulations or political circumstances. In addition, country risks would include events such as introduction of extraordinary exchange controls, economic deterioration, bi-lateral conflict lending to immobilisation of overseas financial assets and the prevalent tax laws of the respective jurisdiction for the execution of trades or otherwise. Page 3

Edelweiss Liquid Fund (f) Risks associated with Securitised Debt Generally available asset classes for securitisation in India: Commercial vehicles Auto and two-wheeler pools Mortgage pools (residential housing loans) Personal loan, credit card and other retail loans Corporate loans / receivables In terms of specific risks attached to securitisation, each asset class would have different underlying risks. However, residential mortgages typically have lower default rates as an asset class. On the other hand, repossession and subsequent recovery of commercial vehicles and other auto assets is normally easier and better compared to mortgages. Some of the asset classes such as personal loans, credit card receivables etc., being unsecured credits in nature, may witness higher default rates. As regards corporate loans / receivables, depending upon the nature of the underlying security for the loan or the nature of the receivable the risks would correspondingly fluctuate. However, the credit enhancement stipulated by rating agencies for such asset class pools is typically much higher and hence their overall risks are comparable to other AAA-rated asset classes Some of the factors, which are typically analyzed for any pool, are as follows: Size of the loan: This generally indicates the kind of assets financed with loans. Also indicates whether there is excessive reliance on very small ticket size, which may result in difficult and costly recoveries. To illustrate, the ticket size of housing loans is generally higher than that of personal loans. Hence, in the construction of a housing loan asset pool for say R 1,00,00,000/- it may be easier to construct a pool with just 10 housing loans of R 10,00,000/- each rather than to construct a pool of personal loans as the ticket size of personal loans may rarely exceed R 5,00,000/- per individual. Average original maturity of the pool: This indicates the original repayment period and whether the loan tenors are in line with industry averages and borrower s repayment capacity. To illustrate, in a car pool consisting of 60 month contracts, the original maturity and the residual maturity of the pool viz. number of remaining installments to be paid gives a better idea of the risk of default of the pool itself. If in a pool of 100 car loans, having an original maturity of 60 months, more than 70% of the contracts have paid more than 50% of the monthly installments and if no default has been observed in such contracts, this pool should have a lower probability of default than a similar car loan pool where 80% of the contracts have not yet paid five installments. Loan-to-value ratio ( LTV ): Indicates how much of the value ofthe asset is financed by borrower s own equity. The lower the LTV, the better it is. This ratio stems from the principle that where the borrower s own contribution of the asset cost is high, the chances of default are lower. Average seasoning of the pool: This indicates whether borrowershave already displayed repayment discipline. To illustrate, in the case of a pool of personal loans, if a pool of assets consist of borrowers who have already repaid 80% of the installments without default, the probability of default is lower than for a pool where only 10% of installments have been repaid. Default rate distribution: This indicates what percentage of thepool and overall portfolio of the originator is current, how much is in 0-30 DPD (days past due), 30-60 DPD, 60-90 DPD and so on. The rationale here is that, as against 0-30 DPD, the 60-90 DPD is a higher risk category. Unlike in plain vanilla instruments, in securitisation transactions it is possible to work towards a target credit rating, which could be much higher than the originator s own credit rating. Investment exposure of the Fund with reference to securitised debt: The Scheme will predominantly invest only in those securitisation issuances which have AAA rating indicating the highest level of safety from a credit risk point of view at the time of making an investment. The Scheme will not invest in foreign securitised debt. The Scheme may invest in various types of securitization issuances, including but not limited to asset backed securitisation, mortgage backed securitisation, personal loan backed securitisation, collateralized loan obligation / collateralized bond obligation and so on. The Scheme does not propose to limit its exposure to only one asset class or to have asset class based sub-limits as it will primarily look towards the AAA rating of the offering. The Scheme will conduct an independent due diligence on the cash margins, collateralisation, guarantees and other credit enhancements and the portfolio characteristic of the securitisation to ensure that the issuance fits into the overall objective of the investment in high investment grade offerings irrespective of underlying asset class. (g) Risks associated with investments in securitised papers Types of securitised debt vary and carry different levels and types of risks. Credit risk on securitised bonds depends upon the originator and varies depending on whether they are issued with recourse to the originator or otherwise. Even within securitised debt, AAA-rated securitised debt offers lesser risk of default than AA-rated securitised debt. A structure with recourse will have a lower credit risk than a structure without recourse. As underlying assets in securitised debt may assume different forms and the general types of receivables include auto finance, credit cards, home loans or any such receipts, credit risks relating to these types of receivables depend upon various factors including macro economic factors of these industries and economies. Specific factors like nature and adequacy of property mortgaged against these borrowings, nature of loan agreement / mortgage deed in case of home loan, adequacy of documentation in case of auto finance and home loans, capacity of borrower to meet his obligation on borrowings in case of credit cards and the intention of the borrower influence the risks relating to the asset borrowings underlying the securitised debt. Changes in market interest rates and pre-payments may not change the absolute amount of receivables for the investors, but may have an impact on the reinvestment of the periodic cash flows that the investor receives in the securitised paper. Limited Liquidity & Price Risk: Currently, the secondary market for securitised papers is not very liquid. There is no assurance that a deep secondary market will develop for such securities. This could limit the ability of the Fund to resell them. Even if a secondary market develops and sales were to take place, these secondary transactions may be at a discount to the initial issue price due to changes in the interest rate structure. Risks due to possible prepayments: Weighted Tenor / Yield: Asset securitisation is a process whereby commercial or consumer credits are packaged and sold in the form of financial instruments. Full prepayment of underlying loan contract may arise under any of the following circumstances: obligor pays the receivable due from him at any time prior to the scheduled maturity date of that receivable; or receivable is required to be repurchased by the seller consequent to its inability to rectify a material misrepresentation with respect to that receivable; or the servicer, recognizing a contract as a defaulted contract, and hence repossessing the underlying asset and selling the same. In the event of prepayments, investors may be exposed to changes in tenor and yield Limited Liquidity & Price Risk: Currently, the secondary market for securitised papers is not very liquid. There is no assurance that a deep secondary market will develop for such securities. This could limit the ability of the Fund to resell them. Even if a secondary market develops and sales were to take place, these secondary transactions may be at a discount to the initial issue price due to changes in the interest rate structure. Page 4

Edelweiss Liquid Fund Bankruptcy of the originator or seller: If the originator becomes subject to bankruptcy proceedings and the court in the bankruptcy proceedings concludes that the sale from originator to the Trust was not a sale then the Fund could experience losses or delays in the payments due. All possible care is generally taken in structuring the transaction so as to minimize the risk of the sale to the Trust not being construed as a True Sale. Legal opinion is normally obtained to the effect that the assignment of receivables to the Trust in trust for and for the benefit of the investors, as envisaged herein, would constitute a true sale. Bankruptcy of the investor s agent: If an investor s agent becomes subject to bankruptcy proceedings and the court in the bankruptcy proceedings concludes that the recourse of the investor s agent to the assets / receivables is not in his capacity as agent / Trustee but in his personal capacity, then an investor could experience losses or delays in the payments due under the swap agreement. All possible care is normally taken in structuring the transaction and drafting the underlying documents so as to provide that the assets / receivables if and when held by an investor s agent is held as agent and in Trust for the Investors and shall not form part of the personal assets of the investor s agent. Legal opinion is normally obtained to the effect that the investors agent s recourse to assets / receivables is restricted in his capacity as agent and trustee and not in his personal capacity. Credit Rating of the Transaction / Certificate: The credit rating is not a recommendation to purchase, hold or sell the Certificate in as much as the ratings do not comment on the market price of the Certificate or its suitability to a particular investor. There is no assurance by the rating agency either that the rating will remain at the same level for any given period of time or that the rating will not be lowered or withdrawn entirely by the rating agency. Risk of Co-mingling: The servicers normally deposit all payments received from the obligors into the collection account. However, there could be a time gap between collection by a servicer and depositing the same into the collection account especially considering that some of the collections may be in the form of cash. In this interim period, collections from the loan agreements may not be segregated from other funds of the servicer. If the servicer fails to remit such funds, due to investors, the investors may be exposed to a potential loss. Due care is normally taken to ensure that the servicer enjoys the highest credit rating on a standalone basis to minimize co-mingling risk. Currency Risk The foreign securities are issued and traded in foreign currencies. As a result, their values may be affected by changes in the exchange rates between foreign currencies and the Indian Rupees as well as between currencies of countries other than India. Restrictions on currency trading that may be imposed by developing market countries will have an adverse effect on the value of the securities of companies that trade or operate in such countries. For additional risk factors, investors are requested to refer to the offering document or the website (www.edelweissmf.com) of the Underlying Fund. In view of the above and as per investment objective, investment in the Scheme should be regarded as long term in nature. The Scheme is, therefore, only suitable for investors who can afford the risks involved. Restrictions on Redemptions: After obtaining board approval the Trustee and the AMC may restrict redemptions in the Scheme when there are circumstances leading to a systemic crisis or event that severely constricts market liquidity or the efficient functioning of markets such as: (a) Liquidity issues when the market at large becomes illiquid affecting almost all securities rather than any issuer specific security. (b) Market failures, exchange closures when markets are affected by unexpected events which impact the functioning of exchanges or the regular course of transactions. Such unexpected events could also be related to political, economic, military, monetary or other emergencies. (c) Operational issues when exceptional circumstances are caused by force majeure, unpredictable operational problems and technical failures (eg a black out). In the event redemptions are restricted, such restriction may be imposed for a specific period of time not exceeding 10 working days in any 90 day period and the restriction on redemption shall not apply to redemption requests up to 2 lakh. Where redemption requests are above 2 lakh, the AMC shall redeem the first 2 lakh without such restriction and remaining part over and above 2 lakh shall be subject to such restriction. As per SEBI circular no. SEBI/HO/IMD/DF2/CIR/P/2016/57 dated May 31, 2016 such restriction on redemption will be applicable to the Scheme with effect from July 1, 2016. Risk Mitigation Factors Concentration Risk Portfolio construction is the responsibility of the investment manager assigned to each fund. There are three objectives to the portfolio construction process: (i) to capture and preserve value from all the best ideas by country specialists; (ii) to ensure no single decision will derail performance; and (iii) to deliver in line with the fund s risk / return profiles. Portfolios are constructed using a disciplined and tailored approach, and there is a high degree of commonality across accounts with similar objectives and profiles. The Scheme invests in a concentrated portfolio and investors should be aware that the Scheme is likely to be more volatile than a diversified scheme as it is susceptible to fluctuations in value resulting form adverse conditions in the market. Investment managers may incorporate their own views on individual stocks and exercise discretion to align with the above guidelines with the objective that is likely to be achieved by inclusion of the stock in a fund portfolio. The investment manager will also reconcile any other anomalies between the stock rankings and portfolio requirements with the overall objective of adding value to the fund portfolio. The Risk Management / Middle Office oversee investment managers to ensure compliance with the fund s internal requirements. The buy / sell decisions generated at the portfolio construction stage of the process are automatically checked against fund guidelines, and electronically forwarded to the trading team for execution. Liquidity Risk High impact costs Dealing in volatile, often illiquid markets imposes a cost on an active investment manager. The responsibility for minimizing the performance drag lies with the Dealing team whose focus is to minimize market impact and transaction costs. The competitive advantages in achieving this objective are: (i) An experienced team. (ii) State of the art systems and on-going investment in trading technology. (iii) Analysis of historical transactions and associated impact costs used to determine trading strategies. (iv) Low commission rates paid to brokers, reducing direct costs per trade. (v) Significant overall commission payout ensuring premium service from investment banks and brokerage firms. The dealing team s success can be measured by comparing each execution to the Volume Weighted Average Price ( VWAP ) and on-line through the independent Best Execution Comparison Service ( BECS ) which compares transaction costs with those of the competition. Effectiveness of the dealing team is measured on an ongoing basis Page 5

Edelweiss Liquid Fund Scheme Plans and Options Applicable NAV Volatility Price volatility due to company or portfolio specific factors As explained above, the volatility arising out of portfolio specific factors are being mitigated using a combination of various methods as explained above. The Scheme offers a choice of two plans: 1. Regular Plan; and 2. Direct Plan. The investment portfolio shall be common for both the Plans. Options Offered Each Plan under the Scheme offers: 1. Growth Option 2. Dividend Reinvestment 3. Dividend Payout 4. Daily, Weekly, Fortnightly, Monthly & Annual Dividend Reinvestment, 5. Weekly, Fortnightly, Monthly & Annual Dividend Payout. Growth: Under the growth option no dividend will be declared. Dividend: Under the dividend option, a dividend may be declared by the Trustee, at its discretion, from time to time (subject to the availability of distributable surplus as calculated in accordance with the Regulations). The AMC shall dispatch to the Unit Holders, the dividend warrants within 30 (thirty) days of the date of declaration of dividend. The dividend distribution procedure shall be in accordance with the Regulations. Note: With effect from March 30, 2017 four separate Plans have been introduced under the Scheme for the limited purpose of deployment of unclaimed redemption and dividend amounts, which are as under: Edelweiss Liquid Fund - Unclaimed Redemption Plan - Upto 3 Years Edelweiss Liquid Fund - Unclaimed Dividend Plan Upto 3 Years Edelweiss Liquid Fund - Unclaimed Redemption Plan - Above 3 Years Edelweiss Liquid Fund - Unclaimed Dividend Plan - Above 3 Years The aforesaid Unclaimed Amount Plans will have only Growth Option. For Purchase under both the Plans i. where the application is received upto 2.00 p.m. on a day and funds are available for utilization before the cut-off time without availing any credit facility, whether, intra-day or otherwise the closing NAV of the day immediately preceding the day of receipt of application; ii. where the application is received after 2.00 p.m. on a day and funds are available for utilization on the same day without availing any credit facility, whether, intra-day or otherwise the closing NAV of the day immediately preceding the next business day; and iii. irrespective of the time of receipt of application, where the funds are not available for utilization before the cut-off time without availing any credit facility, whether, intra-day or otherwise the closing NAV of the day immediately preceding the day on which the funds are available for utilization. For allotment of Units in respect of Purchase in the Scheme, the following needs to be complied with: i. Application is received before the applicable cut-off time. ii. Funds for the entire amount of Subscription / Purchase as per the application are credited to the bank account of the Scheme before the cut-off time. iii. The funds are available for utilization before the cut-off time without availing any credit facility whether intra-day or otherwise, by the Scheme. For allotment of units in respect of switch-in to the Scheme from other schemes, the following needs to be complied with: i. Application for switch-in is received before the applicable cut-off time. ii. Funds for the entire amount of Subscription / Purchase as per the switch-in request are credited to the bank account of the switch-in Scheme before the cut-off time. iii. The funds are available for utilization before the cut-off time without availing any credit facility whether intra-day or otherwise, by the switch-in Scheme. The above will be applicable only for cheques / demand drafts / payment instruments payable locally in the city in which a Designated Collection Centre is located. No outstation cheques will be accepted. For Redemption under both the Plans (a) where the application is received upto 3.00 p.m. the closing NAV of the day immediately preceding the next Business Day ; and (b) where the application is received after 3.00 p.m. the closing NAV of the next Business Day. Note: In case the application is received on a Non-Business Day, it will be considered as if received on the Next Business Day. Minimum Amount for Application / Number of units Despatch of Repurchase (Redemption) Request For Switches Valid applications for switch-out shall be treated as applications for Redemption and valid applications for switch-in shall be treated as applications for Purchase, and the provisions of the Cut-off time and the Applicable NAV mentioned in the SID as applicable to Purchase and Redemption shall be applied respectively to the switch-in and switch-out applications. For All Plans Minimum initial application amount Minimum additional application amount Minimum redemption amount / no. of Units Minimum SIP amount / no. of Installments R 5,000 per application and in multiples of R 1 thereafter R 1,000 per application and in multiples of R 1 thereafter R 1,000 or 1 Unit R 1,000 and 6 Installments Redemption proceeds will be paid by cheques, marked A/c Payee only and drawn in the name of the sole holder / first-named holder (as determined by the records of the Registrar). The Mutual Fund will endeavour to despatch the Redemption proceeds within 1 Business Day from the acceptance of the Redemption request, but not beyond 10 Business Days from the date of Redemption. If the payment is not made within the period stipulated in the Regulations, the Unit Holder shall be paid interest @ 15% p.a. for the delayed period and the interest shall be borne by the AMC. The bank name and bank account number, as specified in the Registrar s records, will be mentioned in the cheque. The cheque will be payable at par at all the cities having ISCs. If the Unit Holder resides in any other city, he will be paid by a demand draft payable at the city of his residence and the demand draft charges shall be borne by the AMC. The proceeds may be paid by way of direct credit / NEFT / RTGS / any other manner through which the investor s bank account specified in the Registrar s records may be credited with the Redemption proceeds. Page 6

Benchmark for Performance Comparison Dividend Policy Name of the Fund Manager(s) & Tenure of Managing the Fund Edelweiss Liquid Fund Note: The Trustee, at its discretion at a later date, may choose to alter or add other modes of payment. The Redemption proceeds will be sent by courier or (if the addressee city is not serviced by the courier) by registered post. The despatch for the purpose of delivery through the courier / postal department, as the case may be, shall be treated as delivery to the investor. The AMC / Registrar are not responsible for any delayed delivery or non-delivery or any consequences thereof, if the despatch has been made correctly as stated in this paragraph. Liquidity Units may be purchased or redeemed at NAV subject to applicable loads (if any) on every Business Day on an ongoing basis. The Fund will endeavour to dispatch the Redemption proceeds within 3 Business Days from the acceptance of the Redemption request. CRISIL Liquid Fund Index. The Trustee may decide to distribute by way of dividend, the surplus by way of realised profit, dividends and interest, net of losses, expenses and taxes, if any, to Unit Holders in the dividend option of the Scheme if such surplus is available and adequate for distribution in the opinion of the Trustee. The Trustee s decision with regard to availability and adequacy, rate, timing and frequency of distribution shall be final. The dividend will be due to only those Unit Holders whose names appear in the register of Unit Holders in the dividend option of the Scheme on the record date which will be announced in advance in accordance with MF Regulations. The Unit Holders have the option of receiving the dividend or reinvesting the same. The dividend will be reinvested at the Applicable NAV of the immediately following Business Day. The AMC shall dispatch to the Unit Holders, the dividend warrants within 30 (thirty) days of the date of declaration of dividend. The dividend distribution procedure shall be in accordance with the Regulations. Name Tenure of Managing the Scheme Fund Manager : Mr. Gautam Kaul February 1, 2017 Name of the Trustee Company Edelweiss Trusteeship Company Limited Performance of the Scheme Edelweiss Liquid Fund Returns as on October 31, 2017 regular Plan Growth Option : Direct Plan Growth Option : Date Scheme Returns (%) CRISIL Liquid Fund Index # (%) Scheme Returns (%) CRISIL Liquid Fund Index # (%) ^Returns for the last 1 year 6.52% 6.71% 6.62% 6.71% ^Returns for the last 3 years 7.29% 7.57% 7.39% 7.57% ^Returns for the last 5 years 8.03% 8.17% **NA **NA ^Returns since inception 7.91% 7.55% 8.11% 8.18% Expenses of the Scheme 12.00% 10.00% 8.00% 6.00% 4.00% 2.00% 0.00% Absolute returns for each financial year for the last 5 years Edelweiss Liquid Fund-Direct Plan-Growth Benchmark returns% - Crisil Liquid Fund Index (Inception Date Dec 31, 2012) 2.06% 9.34% 1.88% 8.17% 9.52% 9.39% 9.54% 9.54% 9.08% 8.92% 8.98% 8.98% Edelweiss Liquid Fund-Regular-Growth Benchmark returns% - Crisil Liquid Fund Index (Inception Date Sep 21, 2007) 7.85% 7.77% 8.06% 8.06% 6.74% 6.65% 7.11% 7.11% FY 12-13 FY 13-14 FY 14-15 FY 15-16 FY 16-17 Financial Years Allotment date : Regular Plan : 21 September, 2007 Direct Plan: 1 January, 2013 # Scheme Benchmark returns ^CAGR Returns ** Not Applicable Note: Since inception returns have been calculated from the date of allotment. Past performance may or may not be sustained in future. As per the Regulations, the following fees and expenses can be charged to the Scheme: Load Structure Entry Load: Nil Exit Load: Nil Existing Investments: (a) Investors wishing to transfer their accumulated unit balance held under Regular Plan (through lumpsum / systematic investments made without Distributor code) to Direct Plan can switch / redeem their investments without any Exit Load. (b) Investors wishing to transfer their accumulated unit balance held under Regular Plan (through lumpsum / systematic investments made with Distributor code) to Direct Plan can switch / redeem their investments (subject to applicable Exit Load, if any). (c) Investors who have invested without Distributor code and have opted for Dividend Reinvestment facility under Regular Plan may note that the dividend will continue to be reinvested in the Regular Plan only. Credit of Exit Load to Scheme: The exit load charged, if any, net of Goods and Service Tax shall be credited to the respective Scheme. A switch-out or a withdrawal under SWP shall also attract an Exit Load like any Redemption. To know the latest position on Loads structure prior to investing / Redemption, investors are advised to contact any of the ISCs or the AMC at its toll-free number 1800 425 0090 (MTNL/BSNL) and non toll free number +91 40 23001181 for others and investors outside India. The Toll Free Number and the Non-Toll Free Number will be available between 9.00 am to 7.00 pm from Monday to Saturday. The investor is requested to check the prevailing load structure of the Scheme before investing. Recurring expenses These are the fees and expenses for operating the Scheme. These expenses include investment management and advisory fee charged by the AMC, the Registrar and Transfer Agents fee, marketing and selling costs etc. as given in the table below: Page 7

Edelweiss Liquid Fund The AMC has estimated the following recurring expenses, as given below that will be charged to the Scheme as expenses. For the actual current expenses being charged, the investor should refer to the website of the Mutual Fund (www.edelweissmf.com). Nature of expense % of daily Net Assets (per annum) (Maximum Limit) Investment management & Advisory fees Trustee fees Audit Fees Custodian fees Registrar & transfer agent fees Marketing & selling expenses including agents commission Costs related to investor communications Cost of fund transfer from location to location Up to 2.25% Cost of providing accounts statement and dividend redemption cheques and warrants etc. Costs of statutory advertisements Cost towards investor education & awareness (at least 2bps) Brokerage & transaction cost over and above 12 bps and 5 bps for cash and derivative market trades resp. Goods and Service Tax on expenses other than investment and advisory fees Goods and Service Tax* on brokerage and transaction cost Other expenses Maximum Total Expense Ratio (TER) permissible under Regulations 52 (6) (c) (i) and (6) (a) Up to 2.25% Additional expenses under regulation 52 (6A) (c)^ Up to 0.20% Additional expenses for gross new inflows from specified cities# Up to 0.30% Note: Distribution expenses will not be charged in Direct Plan and no commission shall be paid from Direct Plan. The TER of the Direct Plan will be lower to the extent of the above mentioned distribution expenses/ commission which is charged in the Regular Plan. # Expenses charged under this clause shall be utilised for distribution expenses incurred for bringing inflows from such cities. Provided further that amount incurred as expense on account of inflows from such cities shall be credited back to the scheme in case the said inflows are redeemed within a period of one year from the date of investment. ^The nature of expenses can be any permissible expenses including Investment Management & Advisory Fees. The purpose of the above table is to assist in understanding the various costs and expenses that the Unit Holders in the Scheme will bear directly or indirectly. The above estimates for recurring expenses for the Scheme are based on the corpus size of INR 1,000 million, and may change to the extent assets are lower or higher. The AMC reserves the right to change the estimates; both inter se or in total, subject to prevailing SEBI Regulations. The AMC may incur actual expenses which may be more or less than those estimated above under any head and / or in total. The AMC will charge the Scheme such actual expenses incurred, subject to the statutory limit prescribed in the SEBI Regulations, as given below. Maximum Recurring Expenses: Daily net assets As a % of daily Additional Total Expense Additional Total Expense net assets (per Ratio as per SEBI annum) Regulations 52 (6A) (c) # Ratio as per SEBI Regulations 52 (6A) (b) # First R 100 crores 2.50% 0.20% 0.30% Next R 300 crores 2.25% 0.20% 0.30% Next R 300 crores 2.00% 0.20% 0.30% Balance of assets over and above R 700 crores 1.75% 0.20% 0.30% # In addition to the limits specified in Regulation 52 (6) (c) of SEBI Regulations, the following costs or expenses may be charged to the Scheme under Regulation 52 (6A) of SEBI Regulations: I. The AMC may charge additional expenses not exceeding 0.20 % of daily net assets of the Scheme incurred towards different heads of fees and expenses. II. Additional expenses may be charged up to 30 basis points on daily net assets of the Scheme as per Regulation 52 of SEBI Regulations, if the new inflows from beyond top 15 cities are at least (a) 30% of gross new inflows in the Scheme or (b) 15% of the average assets under management (year to date) of the Scheme, whichever is higher. Provided that if inflows from such cities is less than the higher of (a) or (b) above, such additional expenses on daily net assets of the Scheme shall be charged on proportionate basis. Provided further that expenses charged under this clause shall be utilized for distribution expenses incurred for bringing inflows from such cities. Provided further that amount incurred as expense on account of inflows from such cities shall be credited back to the Scheme in case the said inflows are redeemed within a period of one year from the date of investment. III. Brokerage and transaction cost incurred for the purpose of execution of trade may be capitalized to the extent of 12bps and 5bps for cash market transactions and derivatives transactions respectively. Any payment towards brokerage and transaction cost, over and above the said 12 bps and 5bps for cash market transactions and derivatives transactions respectively may be charged to the scheme within the maximum limit of Total Expense Ratio (TER) as prescribed under regulation 52 of the SEBI (Mutual Funds) Regulations, 1996. Any expenditure in excess of the said prescribed limit (including brokerage and transaction cost, if any) shall be borne by the AMC or by the trustee or sponsors. In addition to expenses under Regulation 52 (6) and (6A) of SEBI Regulations, AMC may charge Goods and Service Tax on Investment Management and Advisory Fees, expenses other than Investment Management and Advisory Fees and brokerage and transaction cost as below: a. Goods and Service Tax on Investment Management and Advisory Fees: AMC may charge Goods and Service Tax on Investment Management and Advisory Fees of the Scheme in addition to the maximum limit of TER as per the Regulation 52(6) and (6A) of SEBI Regulations. Page 8